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IA-G0048-2
2 APRIL 2016
This guide does not purport to be an interpretation of law and/or regulations and is for guidance purposes only.
CONTENTS
1
SCOPE
INTRODUCTION
QUALITY MANAGEMENT
4.1
4.2
Personnel
4.3
Premises
4.4
Equipment
4.5
4.6
Production
10
4.7
Finished products
10
4.8
10
4.9
11
4.10
Waste
11
4.11
Subcontracting
11
4.12
Deviations
11
4.13
12
4.14
Change control
12
4.15
Internal audit
12
4.16
Documentation
12
FURTHER INFORMATION
12
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SCOPE
The purpose of this document is to provide guidance to manufacturers regarding the good
manufacturing practice (GMP) of cosmetic products, in addition to that outlined in the I.S. EN
ISO 22716:2007 (hereafter known as the Standard).
GMP requirements clearly outlined in the Standard are not repeated within this guidance
document as they are deemed to be self-explanatory and do not need additional clarification.
This guide aims to explain in further detail the expectations of the Health Products Regulatory
Authority (HPRA) with respect to the legal requirements of the Standard. Manufacturers
should therefore ensure that they comply in full with all requirements of the Standard and the
additional clarification of the requirements outlined in this HPRA guidance document.
INTRODUCTION
Regulation (EC) No. 1223/2009 of the European Parliament and of the Council of
30 November 2009 on cosmetic products (the Regulation) was transposed into national
legislation as European Union (Cosmetic products) Regulation 2013 S.I. No. 440 of 2013 (the
S.I.). The role of the HPRA, as the competent authority for cosmetic products, is to ensure
that all cosmetic products on the Irish market meet the requirements of the cosmetic product
legislation and in doing so, do not compromise the health and safety of consumers and any
other person using or coming into contact with such products. Article 8 of the Regulation
requires the manufacture of cosmetic products to comply with GMP.
The HPRA conducts regular inspections of manufacturers of cosmetic products based in
Ireland to ensure compliance with GMP.
It should be noted that for the purposes of GMP inspections, authorised officers of the HPRA
have the powers to enter and search any premises where manufacture of a cosmetic product
may be taking place. Samples may be taken without payment for analysis and products or
documentation may be detained.
A cosmetic product means any substance or mixture intended to be placed in contact with
the external parts of the human body (epidermis, hair system, nails, etc.) or with the teeth and
the mucous membranes of the oral cavity with a view exclusively or mainly to cleaning them,
perfuming them, changing their appearance, protecting them, keeping them in good
condition or correcting body odours.
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QUALITY MANAGEMENT
Cosmetic products must be manufactured in such a way as to ensure that they are fit for their
intended use and do not place consumers at risk due to inadequate safety or quality. The
attainment of this quality objective is the responsibility of senior management and requires
the participation and commitment by staff at all levels across all departments within the
company, by the companys suppliers and by its distributors. To effectively achieve this quality
objective, there must be a comprehensively designed and correctly implemented quality
management system (QMS) in place.
Quality management ensures that the manufacture of a cosmetic product is consistent.
Quality management for manufacture of cosmetic products consists of GMP and quality risk
management (QRM) which are interdependent practices. GMPs fulfil the minimum
requirements that a cosmetic manufacturer must meet to assure that their products are of
high quality and do not pose any risk to the consumer or any other person using or coming
into contact with such products. This is done through the description of plant activities that
are based on sound scientific judgement and risk assessments. QRM is the identification,
assessment and prioritisation of risks to the quality of a cosmetic product followed by
coordinated and economical application of resources to minimise, monitor, and control the
probability and/or impact of compromised quality. ICH guideline Q9 on Quality Risk
Management provides principles and examples of tools for quality risk management.
The QMS should be fully documented and its effectiveness monitored. All parts of the system
should be adequately resourced with competent personnel, and suitable and sufficient
premises, equipment and facilities.
The inter-relation between quality management, GMP and QRM is fundamental to the
production and control of cosmetic products. GMP cannot be performed effectively without
the application of QRM and a QMS in place.
4.1
A QMS appropriate for the manufacture of cosmetic products should ensure that:
(i)
(ii)
(iii)
(iv)
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(v)
(vi)
(vii)
(viii)
(ix)
(x)
(xi)
(xii)
(xiii)
(xiv)
(xv)
Procedures are in place for the manufacture, supply and use of the correct starting
and packaging materials and the selection and monitoring of suppliers.
Processes are in place to assure the appropriate management of subcontracted
activities (including comprehensive technical agreements).
A state of control is established and maintained by developing and using effective
monitoring and control systems for process performance and product quality.
The results of product and processes monitoring are taken into account in batch
release, in the investigation of deviations, and, with a view to taking preventive
action to avoid potential deviations occurring in the future.
All necessary controls on intermediate products, and any other in-process controls
and validations are carried out.
Continual improvement is facilitated through the implementation of quality
improvements appropriate to the current level of process and product knowledge.
Arrangements are in place for the prospective evaluation of planned changes
and their approval prior to implementation taking into account updates to the
product information file, where required.
After implementation of any change, an evaluation is undertaken to confirm
that the quality objectives were achieved and there was no unintended deleterious
impact on product quality.
An appropriate level of root cause analysis should be applied during the
investigation of deviations, suspected product defects and other problems. This
can be determined using QRM principles. In cases where the true root cause(s) of
the issue cannot be determined, consideration should be given to identifying the
most likely root cause(s) and to addressing those. Where human error is suspected
or identified as the cause, this should be justified having taken care to ensure that
process, procedural or system-based errors or problems have not been
overlooked, if present. Appropriate corrective actions and/or preventative actions
(CAPAs) should be identified and taken in response to investigations. The
effectiveness of such actions should be monitored and assessed, in line with
QRM principles.
Satisfactory arrangements exist to ensure, as far as possible, that the cosmetic
products are stored, distributed and subsequently handled so that quality is
maintained throughout their shelf life.
There is a process for internal audit, which regularly appraises the effectiveness and
applicability of the quality system.
Senior management has the ultimate responsibility to ensure an effective QMS is in place,
adequately resourced and that roles, responsibilities, and authorities are defined,
communicated and implemented throughout the organisation. Senior managements
leadership and active participation in the QMS is essential. This leadership should ensure
the support and commitment of staff at all levels and sites within the organisation to the
quality system.
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Good manufacturing practice (GMP) is that part of quality management which ensures that
products are consistently produced and controlled to the quality standards appropriate to
their intended use. GMP is concerned with both production and quality control. The basic
requirements of GMP are that:
(i)
(ii)
(iii)
(iv)
(v)
(vi)
(vii)
(viii)
(ix)
(x)
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(xi)
Complaints about products are examined, the causes of quality defects investigated
and appropriate measures taken in respect of the defective products and to prevent
reoccurrence.
4.1.2
Quality control
Quality control is that part of GMP which is concerned with sampling, specifications and
testing, and with the organisation, documentation and release procedures which ensure that
the necessary and relevant tests are actually carried out and that materials are not released
for use, nor products released for sale or supply, until their quality has been judged to be
satisfactory. The basic requirements of quality control are that:
(i)
(ii)
(iii)
(iv)
(v)
(vi)
(vii)
4.1.3
Adequate facilities, trained personnel and approved procedures are available for
sampling and testing starting materials, packaging materials, intermediate, bulk, and
finished products, and where appropriate for monitoring environmental conditions
for GMP purposes.
Samples of starting materials, packaging materials, intermediate products, bulk
products and finished products are taken by approved personnel and methods.
Test methods are validated.
Records are made, manually and/or by recording instruments, which demonstrate
that all the required sampling, inspecting and testing procedures were actually carried
out. Any deviations are fully recorded and investigated.
The finished products contain ingredients complying with the qualitative and
quantitative composition of the product formulation as detailed in the product
information file, are of the purity required, and are enclosed within their proper
containers and correctly labelled.
Records are made of the results of inspection and testing of materials, intermediate,
bulk, and finished products is formally assessed against specification. Product
assessment includes a review and evaluation of relevant production documentation
and an assessment of deviations from specified procedures.
Sufficient reference samples of starting materials and products are retained to permit
future examination of the product if necessary and the sample is retained in the final
pack.
Quality risk management
Quality risk management is a systematic process for the assessment, control, communication
and review of risks to the quality of the cosmetic product. It can be applied both proactively
and retrospectively. The principles of QRM are that:
(i)
The evaluation of the risk to quality is based on scientific knowledge, experience with
the process and ultimately links to the protection of the consumer.
(ii)
The level of effort, formality and documentation of the QRM process is
commensurate with the level of risk.
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Examples of the processes and applications of quality risk management can be found in ICH
Q9 on Quality Risk Management.
Note: The guidance in this section is taken from Chapter 1 of the The Rules Governing
Medicinal Products in the European Union, Volume 4, EU Guidelines for Good Manufacturing
Practice for Medicinal Products for Human and Veterinary Use with appropriate amendments
to reflect cosmetic products.
4.2
Personnel
Premises
Manufacturers should consider the design/lay-out and finish of manufacturing, filling and
packaging areas with the view to ensuring protection of the product, efficient cleaning and
maintenance and minimising the risk of mix up of products, raw materials and packaging
materials.
Light fittings in manufacturing areas should be installed in such a manner to ensure
containment of any debris from potential breakage.
Ventilation of the premises should be reviewed considering the nature of powder substances
and volatile fragrances handled.
Manufacturers should assess and document the environmental conditions required for
manufacture and storage of the different products. Monitoring of temperature and/or relative
humidity should be conducted if considered important to the quality of the finished product.
A pest control system should be implemented and documented.
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4.4
Equipment
Instructions for the operation, calibration, maintenance and cleaning of equipment should be
documented in procedures under the companys QMS.
Consideration should be given to all equipment used during manufacture (e.g. weighing
scales, temperature recorders, mixers etc.) and requirements for calibration should be
assessed and documented.
A risk assessment should be conducted to determine the requirement and frequency for
certification of weights used to calibrate balances to national/international standards.
For sampling booths with HEPA filtration units installed, the period of time from switching on
the unit to usage for sampling operations should be established and documented. Calibration
certificates and records, maintenance records and cleaning records should be maintained.
A risk assessment should be performed with respect to the qualification/temperature
monitoring requirements for storage areas, including cold stores, used to store raw materials,
intermediates and products.
Cleaning procedures should include specific details of cleaning methods for utensils and
surfaces including details of cleaning agents used.
4.5
With respect to the evaluation of new suppliers, it is recommended that comparative analysis
be conducted on different supplier lots of raw materials using the principles of QRM.
The company should engage with suppliers of key raw materials with the view to obtaining a
certificate of analysis for each batch of raw material supplied. These should be included in the
product information file as described in the HPRA Guide to Cosmetic Products for
Responsible Persons located at www.hpra.ie.
Specifications for raw materials (including water) and packaging materials should be
documented including defined acceptance criteria relevant to the quality of finished products.
Containers/bags of raw materials and packaging materials should be closed and sealed
during storage to prevent contamination.
In circumstances where water is used in the manufacture of cosmetic products, consideration
should be given to the water quality required and an assessment as to whether the raw town
water should be tested on a periodic basis using the principles of QRM.
Appropriate arrangements should be implemented for tracking the usage of raw materials
and packaging materials (e.g. stock cards).
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Where physical labels are used to identify the status of containers of raw materials, packaging
materials, intermediates and finished products, the previous status label on the container(s)
should be defaced or alternatively the new status label may be placed over the previous label
so that the superseded status is obliterated.
4.6
Production
Detailed instructions for cleaning, checking and approval of production areas should be
documented in procedures under the companys QMS. Checks for cleanliness of rooms or
equipment should be conducted by a second independent person and not by the person who
conducted the cleaning operation(s).
Manufacturing operations should be carried out according to manufacturing documentation
with detailed instructions regarding equipment to be used, the product formulation, addition
of raw materials, temperatures, speeds, mixing times etc. In process control checks should be
documented. The weight requirements for the finished product (if applicable) should also be
specified.
Records to confirm critical steps such as actual temperatures reached, heating times, speeds,
mixing times, equipment cleaning operations etc. should be maintained for each batch
manufactured.
4.7
Finished products
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A procedure for the handling of product that is out of specification should be documented
under the companys QMS and implemented.
4.10
Waste
Procedures for the segregation and handling of waste should be documented and
implemented, including the labelling requirements.
4.11
Subcontracting
Systems should be in place to ensure that a subcontractor is not used prior to their review
and approval through the QMS.
Technical/quality agreements should be put in place with contract service providers outlining
the roles, responsibilities and communication processes with respect to the service(s)
provided.
Technical agreements should also be put in place with clients to whom the company provides
a contract manufacturing service. These agreements should include the responsibilities of
both parties with respect to the manufacturing, packaging, supply and distribution of
cosmetic products. In such a scenario, it should be defined which party assumes the role of
the responsible person for all cosmetic products for the European market and is therefore
responsible for the documentation requirements of the product information file.
4.12
Deviations
A procedure for the handling of deviations should be documented under the companys QMS
and implemented. The procedure should incorporate the principles of QRM and should
provide for the identification and implementation of corrective and preventive actions (CAPA),
as appropriate.
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4.13
Procedures for complaints and recalls should be documented and implemented under the
companys QMS.
A list of all customers including contact details should be maintained so that in the event a
recall is required there is full product traceability throughout the supply chain.
4.14
Change control
A procedure for change control should be documented under the companys QMS and
should incorporate the principles of QRM. Arrangements should be in place for the
prospective evaluation of planned changes and their approval, prior to implementation,
taking into account updates to the product information file, where required. After the
implementation of a major change, an evaluation should be undertaken to confirm the quality
objectives were achieved and that there was no unintended deleterious impact on product
quality.
4.15
Internal audit
A procedure for internal audit should be documented under the companys QMS.
4.16
Documentation
All documents implemented under the companys QMS should be approved, signed and
dated by authorised persons before being used.
A procedure for QRM should be developed and implemented at the site.
FURTHER INFORMATION
For queries relating to cosmetic products, contact the HPRA at the following address:
Compliance Department
Health Products Regulatory Authority
Kevin OMalley House,
Earlsfort Centre
Earlsfort Terrace
Dublin 2
Telephone: +353-1-6764971
Fax: +353-1-6764061
E-mail: cosmetics@hpra.ie
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